Executive Summary 1. Audit Findings by Key Areas 7. Key Area 1: Planning of Measures and Selection of Projects 7

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1 Report to the Contact Commiittee of the Heads of the Supreme Audit Institutions of the Member States of the European Union and the European Court of Auditors On the Parallel Audit of the Performance of the Structural Funds programmes of the European Union in the areas of employment and/or the environment by the Working Group on Structural Funds

2 Index Executive Summary 1 Introduction 4 Background Mandate 4 Audit objective 5 Scope and approach of the parallel audit 5 Audit Findings by Key Areas 7 Key Area 1: Planning of Measures and Selection of Projects 7 Conclusions 7 Findings 7 Programme period Programme period Recommendations 10 Good practice 11 Programme period Programme period Key Area 2: Goal oriented application procedures 13 Conclusions 13 Findings 13 Programme period Programme period Recommendations 16 Good practice 16 Key Area 3: Award procedures 18 Conclusions 18 Findings 18 Programme period Programme period Recommendations 19 Good practice 20

3 Key Area 4: Monitoring and Reporting 21 Conclusions 21 Findings 21 Programme period Programme period Recommendations 23 Good practice 24 Key Area 5: Evaluation 25 Conclusions 25 Findings 25 Recommendations 26 Good practice 27 Key Area 6: Participation of the Monitoring Committees in the evaluation of earlier Structural Funds measures and in the planning of new Structural Funds measures 28 Conclusion 28 Findings 28 Recommendations 29 Good practice 30 Annex A: Audit Scope (Funds, Areas and Objectives) 31 Annex B: Audit Work of SAI (Methods) 32 Annex C: Aggregate of SAI assessments 33 Annex D: Lists of abbreviations 34 Annex E: Audit Plan 35

4 Executive Summary Mandate The 2006 Contact Committee gave the Working Group 1 a mandate to continue its reviews of Structural Funds issues and specifically to carry out a focused review on Performance (output/effectiveness) of the Structural Funds programmes in the areas of employment and/or environment. Audit Plan The audit subject is an important topic of relevance to both the and Structural Funds programmes. Based on the examination of measures and projects from the programme period each SAI aimed to conclude on the extent to which Member States have contributed to the achievement of the strategic goals of the respective Operational Programmes (OP). In order to undertake this review the Working Group developed an Audit Plan to be used by each participating Supreme Audit Institution (SAI) in carrying out their respective national audits. Main conclusions With respect to the planning of measures and the selection of projects in , the review identified examples of good practice but also several shortcomings in the arrangements in place within Member States in responding effectively to meeting the primary goals of the Structural Funds. For the situation was much more encouraging as the review concluded that Member States had responded positively to the lessons learned from the previous period, and had acted upon recommendations for improvements made by the SAI. Some procedures for project appraisal and selection are sufficient to ensure the selection of projects in terms of their contribution to the aid measures goals, although some weaknesses were identified regarding the reliable assessment of projects costeffectiveness. Once again a number of Member States had generally taken appropriate action to address identified weaknesses through changing and improving procedures for the period. In a number of cases the Member States award procedures support the delivery of projects as planned and with sustainable results. Nevertheless, further improvements 1 SAIs of Austria, Finland, Germany, Hungary, Italy, Latvia, Malta, The Netherlands, Poland, Portugal, Slovak Republik, Slovenia, Spain and the United Kingdom. The SAIs of Bulgaria, the Czech Republic and Lithuania and the ECA were observers. 1

5 of the procedures are often necessary. Some of these improvements have been addressed in the arrangements for the new period. While Member States have established systems for monitoring and reporting which provide a basis for evaluation, in many cases the monitoring indicators have been overcomplicated, inconsistent or not well-defined. Typically, more attention is paid to financial monitoring than to monitoring progress in achieving the planned outcomes. It is too early to conclude on the effectiveness of the systems established for monitoring the period. The ex ante and midterm evaluations required under Council Regulation (EC) No. 1260/1999 have been carried out. However, in many Member States these could be improved through a clearer definition of programme goals and indicators and more focus on results rather than financial progress. For the period Monitoring Committees have participated in the evaluation of programmes although there was a tendency to focus on financial results rather than the outcomes achieved. For the period, the appointment of the Monitoring Committees several months after the approval of the OP in some Member States, which is still in accordance with the timeframe set out in EC-Regulation No. 1083/2006, meant that the Committees involvement in the planning of measures was necessarily very limited. The role and responsibility of the Monitoring Committee in the system of the implementation of funds is not sufficiently clear. Recommendations Our main recommendations are directed to individual Member States, while others are also directed to the European Commission (Commission). The SAIs should monitor their implementation where appropriate. The criteria for project selection, appraisal and evaluation should be set so as to facilitate an assessment of value for money and sustainability. Where measures from continue in the period, any procedural weaknesses should be addressed before the aid measure is continued. Controls should be put in place to help ensure that projects are carried out as planned, funding is used only for eligible activities, and clawback arrangements could be used to recover funds where appropriate. Funding should be directed to a clearly defined target group to meet the most urgent demand. 2

6 Project indicators should be simplified and better defined so that the effectiveness of individual projects can be better assessed. In turn, national monitoring systems should gather appropriate information to support sound programme evaluation. Monitoring and evaluation of results should focus more on the outcomes achieved by the funding of projects than on financial progress. For future programme periods the Commission should encourage Member States to establish Monitoring Committees at the earliest possible stage; to give them the opportunity to involve themselves in the planning and selection of measures. It could also be made clearer what the Monitoring Committee is accountable for and distinguish between the pure monitoring function and genuine partnership principle and supervision role. Good Practice The report sets out good practice identified by individual SAIs, relevant for both programme periods and As a general matter of good practice, many of the lessons learned from the programme period have been incorporated into Member States administrative arrangements for Specific common areas of good practice included the following: publication of calls for tender setting out clear and specific requirements for project descriptions, including a clear explanation as to how the project addresses the programme s objectives; project and programme monitoring and evaluation can be improved through a number of mechanisms; such as national authorities issuing guidance for beneficiaries on monitoring project implementation; undertaking additional voluntary evaluations and studies; and using various consultative groups to support monitoring and evaluation; and Monitoring Committees are established in line with the partnership principle, including a wide and varied representation of relevant partners. 3

7 Introduction Background In 2000 the Contact Committee of the Heads of the Supreme Audit Institutions of the EU Member States and the European Court of Auditors (Contact Committee) created a Working Group to carry out an exploratory survey on EU structural funds. A questionnaire was sent to the Supreme Audit Institutions (SAI) to gain an understanding of how these funds were controlled and managed by the various countries and to identify possible risk areas. The Working Group reported its findings from this work to the Contact Committee in November The Contact Committee subsequently approved two parallel audits. The first of these examined the application of the regulations to ensure that all Member States implement independent checks on 5% of expenditure and had established appropriate audit trails to support transactions. The final report on the review was presented to the December 2004 Contact Committee. The second parallel audit involved a review of the processes in place for identifying, reporting and following up on Irregularities. The final report on that review was presented to the December 2006 Contact Committee Mandate In 2006 the Contact Committee gave a mandate to the Working Group on Structural Funds to continue its reviews of Structural Funds issues and specifically to carry out a focused review on Performance (output/effectiveness) of the Structural Funds programmes in the areas of employment and/or environment. The Working Group agreed an Audit Plan (see Annex E) which provided a framework for carrying out the review. Each SAI examined their respective national administration s work on the planning, monitoring and evaluation of projects, measures, sub programmes or programmes (as appropriate) co-financed by the Structural Funds. To ensure a consistent and coherent approach, all Members of the Working Group were requested to follow this audit plan, particularly with regard to the main questions, conclusions and the format for the country reports, as closely as possible. The audit questions were designed to help the auditor to gather the necessary evidence to support the conclusions. 4

8 Audit objective The Working Group strives to identify potential improvements in the Structural Funds programmes, especially in their planning and in their administrative management. The review has involved each SAI in an examination of the Structural Funds (objectives 1 and 2) in the areas of employment and/or environment, and concluding on the following: if and how national authorities monitored the sustainable success of the funded measures; to what extent aid measures (sub programmes, major projects and other projects) provided an effective and sustainable contribution to the strategic goals of the Structural Funds. The findings of each of the national audits have been combined into this single combined report which includes recommendations for the improvement of the programmes and the implementation of aid measures in the new period of the Structural Funds. Scope and approach of the parallel audit The subject of the audit is an important topic of relevance to both the and Structural Funds programmes. The audit is concerned with the two Key Areas of the strategic planning and the evaluation of aid measures. Based on the examination of measures from the period each of the SAIs aimed to conclude on the extent to which Member States have contributed to the realisation of the respective OP s strategic goals. As the goals of the Structural Funds have continued from the period to the programme period , the findings from the audit of measures from the period have been used to inform the recommendations for the improvement of the new period The Working Group recognised that not all SAIs could address fully each of the six Key Areas of the Audit Plan, or all funds and objectives. At the same time, some SAIs may not cover both the environment and employment objectives of the parallel audit. All participants of the Working Group were, however, encouraged to cover as much of the audit plan as possible. The Working Group also acknowledged that the scope of the examination carried out by each SAI could be influenced by, for example, national rules or constraints. Annex A sets out the scope of the audit undertaken by each participating SAI within the Working Group and Annex B sets out the working methods used by each SAI to gather their audit evidence. The aggregated results of the national audits are shown in Annex C. A sample of measures have been examined by the SAIs to inform the conclusions of the audit (see Annex A for the extent of coverage). Measures were selected on the basis of 5

9 having been started in the period and either having been completed or were sufficiently advanced to estimate their success or failure. The selected measures should also have continued in the new period or should have similar successors in new programmes, for example measures in infrastructure such as the restructuring of industrial wastelands, founding of new enterprises, aid programmes for employment etc. This continuity of the audited measures meant that SAI recommendations arising from the examination of measures from the programme period would be relevant in the new period. 6

10 Audit Findings by Key Areas Key Area 1: Planning of Measures and Selection of Projects Is programme planning and project selection focused on the contribution to the Funds primary goals in the areas of employment and the environment? Conclusions The planning and selection of measures and the establishment of project selection criteria are the key first steps in framing the national Operational Programmes (OPs), and thus ensuring that Member States address the primary ecological and job related goals of the Structural Funds and Lisbon Strategy (see Art. 2 No 3 EU-regulation No 1083/2006). For the programme period the SAI reviews for several Member States identified shortcomings with the overall arrangements in place. Not all Member States were able to evidence that the contribution to the Funds primary goals was the main factor in the selection of aid measures. Similarly, in some Member States, particularly in the environment area (ERDF), there was only limited evidence that ecological goals had been considered. Following the revision of the Lisbon Strategy in 2005, and the issuance of EU Regulations (Council Regulation 1083/2006) on Community Strategic Guidelines on Cohesion, there is clear evidence that Member States have acted upon lessons learned from the period, and taken far greater account of the Funds primary goals in formulating planning measures and project selection criteria for Most Member States have identified improvements but some weaknesses still remain. It is currently too soon to assess to what extent these improvements will contribute to the Lisbon objective of making the EU the most dynamic, knowledge-based economic area in the world by Findings Programme period The findings reported were generally consistent, but differences were identified between the national responses to the environmental (ERDF) and employment (ERDF and ESF) goals: in some Member States the primary goals formed an integral part of the planning and selection process whilst 7

11 other Member States had processes in place which were in general directed towards the primary goals, nevertheless some shortcomings were identified. For most Member States that had satisfactory processes in place, addressing the primary goals of environmental sustainability and job-related goals formed an integral part of the OP; and there was also a direct relationship between such goals and national concerns (A, E, M, NL, PL, SI and UK). All SAIs, however, identified some weaknesses, the variety of which exemplified the differing situations between the Member States as well as between the results found in the areas of environment and employment: on selection criteria - in some Member States clear, essential and specific selection criteria had been developed (E, FIN, PL and UK); including, the need for each project to promote at least one horizontal theme (FIN): but in other Member States, weaknesses were that the selection criteria favoured traditional type projects over more innovative alternatives (A, D; I and P); that they were not always strictly linked to funding objectives (D-ESF); or, within the OP it was not clearly demonstrated how the planning of measures and selection of activities ensured that the projects that were likely to contribute most to achieving specific employment objectives, considering costs and benefits, were selected or given greater preference (SI); on appropriate monitoring indicators - weaknesses were that these were not always reflected in the selection criteria or linked to target values, making it difficult to measure impacts later (I, LV, NL-ESF and SI); when they were linked, later reporting was based on projected rather than achieved results (NL-ERDF); and, their target values were not always fully consistent with the specific objectives of measures (E); on the use of ex-ante appraisals and analyses - in some Member States, appraisals, appropriate social and labour market analyses and consideration of EU-level employment strategies were undertaken and used to confirm the potential benefits of the measures listed in the OP (FIN, M, PL and UK), whilst for others the planning of measures and setting selection criteria was not always based on such appraisals or analyses (D-ESF and I); on national objectives - the ESF programme, via the OP for Employment, Training and Social Development, had a significant systemic impact on national employment policies (P); weaknesses were that national authorities did not adequately address the objective of improving environmental quality, and environmental concerns had little influence on the design of the funding measures (D-ERDF); and in other cases (E, LV and UK), although national objectives were in line with SF objectives, the different levels of planning documentation were not always consistent, which left room for misinterpretation and complicated the definition of achievement indicators; 8

12 on programme procedures - weaknesses were that eligibility requirements were unnecessarily detailed and could have held up the progress of the programme (PL but addressed later in the programme); the re-programming process did not effectively address the demands for innovation and structural change (P); and changes in planning emphasis were essentially N+2 driven (NL). Programme period As well as considering whether or not the new period s planning and selection procedures are suitable to support the successful execution of the programme; the review also looked to assess to what extent lessons learned from the period were reflected in the current procedures and guidance. The Structural Fund s processes of regular reporting, monitoring and evaluation readily lend themselves to identifying shortcomings from programme period to period. Those processes, supported by the SAI recommendations, have resulted in most Member States identifying improvements and a better response to the Lisbon Strategy and the Community objectives; although there is still scope for further improvements. As the impact of environmental projects tends to be more apparent in the longer term, it is encouraging that the concept of sustainable development in terms of resources, allocation, impact and mentoring has been afforded much greater importance (H, I, LV, M and UK): on selection criteria - stricter and more detailed selection criteria will be introduced after approval by the Monitoring Committee (I and SI); given the need for co-financing policy initiatives, the processes are now able to ensure an improved level of project selection (P); and the setting of project criteria has been enhanced to emphasise cost effectiveness and value for money (LV). on appropriate monitoring indicators - there are now clear links between indicators and target values (NL-ESF) and between their target values and the intermediate and specific objectives of programmes and measures (E), hence reliable ex-post evaluation should be possible; monitoring indicators must now be reflected in selection criteria and project applications (LV); and priority (area) indicators have been established at the levels of product, result and impact, along with base values and target value estimates (PL); whereas in some cases technical indicators are still not sufficiently detailed or accurate to effectively monitor value for money aspects of the programme (H); on the use of evaluations and analyses a continuing weakness was that although revised strategies take account of mid-term evaluations, managing authorities are still 9

13 not consistently applying them to the selection of funding measures; which in turn are not always chosen based on adequate cost benefit analyses (D-ESF); on national objectives and programme management - activity objectives are more clearly defined in a single OP (LV); processes now place greater emphasis on business needs and lead to greater intervention of Small and Medium-Sized Enterprises (SMEs) (P); most of the budget will now go to measures aimed at innovation, the knowledge economy and entrepreneurship (NL-ERDF); objectives now focus on the most significant areas of increasing employment levels and improving human capital quality (PL); overlaps and inconsistencies regarding the definition of objectives and their quantification in the different levels of planning documentation have been eliminated due to the simplification of programming process (E); and management of the programme has been devolved to a regional level and should align national and regional strategies more effectively (UK); continuing weaknesses in some cases were that there is still insufficient regard to environmental objectives in programme measures (D-ERDF), and some measures over which there are still doubts as to their effectiveness are retained (D-ESF); on implementations - in some Member States that significantly revised their processes and/or introduced new measures to respond to the more stringent requirements of EC Regulations, it was felt that this had resulted in a delayed start to implementation (A, FIN, and I). Recommendations Arising from the weaknesses identified in the period, SAIs made the following recommendations for improvements to be incorporated into the planning and selection criteria processes for : on selection criteria - greater consideration should be given to achieving added value and sustainability when formulating project selection criteria; and, the role of Monitoring Committees in approving selection criteria should be reconsidered and defined in more detail; on planning documentation - an OP for each Fund would reduce the planning time; there should be consistency between policy planning and implementation documents and adequate monitoring indicators should be formulated to help measure and confirm that outputs and results achieve the set objectives; managing authorities should place greater emphasis on gathering and disseminating information on good practices in project management; 10

14 on funding considerations - the funding guidelines should clearly define the requirements for grant funding; and systematic cost benefit appraisals should be carried out prior to approval to facilitate comparison between applicants, and funding should focus more on the identified target groups; on environmental considerations - where a potential beneficiary has a certified (to international standards) environmental management system in place, it should be eligible for higher grants than non-certified organizations. From the findings and weaknesses identified in the period, SAIs made the following recommendations: on funding measures - managing authorities should not approve funding measures until they have been sufficiently specified and subjected to an adequate cost benefit analysis; they should aim to reduce the number of different funding measures for the establishment of new entrepreneurs, and more precisely define the remaining support schemes to avoid overlap of measures; on planning documentation - the amount of documentation that is required to be submitted to the Commission should be reduced and national documentation should be standardized; when preparing planning documents and formulating achievement indicators for environmental objectives, the national authorities should include consistently stated output and result indicators for all objectives, to ensure the appropriate monitoring of the achievement of set goals; and on guidance - authorities should update their promotional efforts to reach potential beneficiaries and regularly monitor the impacts of projects on both international and domestic environmental targets. Good practice Programme period on evaluations and analysis - detailed analyses were carried out to identify suitable areas for nature based projects - drinking water, waste management, Natura 2000 etc. (H); the ex-ante evaluation included a study to assess the impact of the OP on environmental issues of air quality, sea, landscape, heritage and drinking water; moreover, these constituted novel initiatives to support water and waste management and air quality in a high density environment (M); on guidance etc. - national authorities created a government support structure to promote the occupational integration of disabled people (D-ESF); issued a Manual 11

15 for Project Providers to keep potential beneficiaries informed on the setting of activities and achievement of sustainable and measurable objectives etc. (PL); and regional environmental advisers were appointed to projects to ensure they realised their full potential (UK); on programme procedures - the re-programming process reinforced the central role of the ESF programme and the internal coherence of its measures, thus improving its capacity for intervention (P). Programme period Many of the lessons learned have been incorporated into the OP and some of the positive examples reflect the actions taken in response to earlier recommendations by SAIs: on selection criteria - the Partnership principle (Article 11 of Regulation (EC) No. 1083/2006) involving, social partners and Non-Governmental Organisations (NGOs) and extensive consultation with, among others, trade unions, chambers of commerce, business associations and universities will be more widely applied (E, FIN and LV); on planning - action plans are now reviewed on an annual basis and a two-year rolling plan has been introduced to allow for greater flexibility in the planning process; target environmental conditions are now shown with specific indicators, including current and achievable status information (H); and sustainability is given far greater prominence in planning (I, LV and M); on national objectives and strategies - strategies developed to ensure that resources no longer target routine measures (A) for assisting the unemployed (D-ESF and PL); ranking systems have been introduced to improve project selection, and social security numbers of ESF participants will be linked to national statistical data to allow programme impacts to be assessed over a longer period (NL-ESF); on the use of evaluations and analyses - ex-ante evaluations of National Strategic Reference Frameworks (NSRFs) have provided prior judgment advice to national authorities to ensure that they improve programme quality and focus on the Lisbon objectives (M); following mid-term evaluations and consultants inputs, the authorities re-structured the financial support of consultancy services for new entrepreneurs, providing a more effective grant funding process (D-ESF); on guidance - a preparatory Start Workshop was held in 2005 (A); based on an assessment of performance the managing authority commissioned a Good Practice Guide for the ERDF and ESF programmes, which included wide ranging recommendations on good practice (UK). 12

16 Key Area 2: Goal oriented application procedures How do the national application procedures for calling in, formulating and analysing applications support selection of projects that represent best value for money? Conclusions The audited application procedures (procedures for project appraisal and selection) are generally adequate to support the selection of projects in terms of their contribution to the respective aid measures goals. Nevertheless, some weaknesses were identified regarding the reliable assessment of projects cost-effectiveness. Some procedures were not suitable to ensure that support went to the applicants with the most urgent demand but rather tended to provide support to the most sophisticated applications. Application procedures relevant under this Key Area are the procedures which are used to acquire, formulate and evaluate applications for specific projects. As the examination of the application functions as an ex-ante-evaluation of the respective project, it is important that: a project s real contribution to the aid measure s goals and its chances for a long term effectiveness is thoroughly evaluated; a value for money analysis shows, whether the project addresses a priority of the respective aid measure or not; and, the requirements on applications ensure that an application contains all necessary information on a project. The result of this application procedure would be the respective body s decision, whether the project should be co-financed by means of a State aid measure. At the same time the administrative burden of the application procedure should be kept in check for all concerned. Findings Programme period For some aid measures, calls for tenders were published to encourage applications and scoring systems were implemented. The calls contained relevant requirements, indicators, criteria etc. by which an applicant can identify the purpose 13

17 of the aid measure and the conditions the project should fulfil (FIN, H, I, LV 2, M, PL, SI UK). In some cases projects were selected by competitive procedures, using a scoring system (A, H, PL, UK). In one case this applied, however, only for a part of the measures financed under an OP (A). In one case, the selection of projects in the area of environment was supported by national or regional regulations and plans (E). A number of Member States used a two round application procedure 3 for some but not for all of their aid measures (D, H). In one case, applications had to attach a business case with detailed information on the project, in order to allow reliable value for money analysis (UK). In some cases, the projects effects and contribution to the aid measures goals in the areas of employment (D-ERDF, FIN, PL, UK) and environment (H, UK) were thoroughly examined and evaluated before granting funding. Nevertheless, the requirements on cost estimations and financing schemes did not always ensure that the applications contained all information on cost estimation and cost risks necessary for a reliable value for money analysis (D-ESF, H, SI). Where the requirements do not ensure that the applications contain all necessary information, a reliable value for money analysis is not possible. In one case, no measurable criteria were defined, the projects contribution to the respective measure s targets was hardly evaluated and no resilient analysis of the projects value for money was performed (D-ESF). Where criteria for the selection of projects had been stipulated and/or an extensive procedure for the value for money analysis had been implemented, these criteria were not sufficiently clear and concrete (I 4, LV, SI), the regulations were only partially complied with, the methodology used was inadequate (LV) or the process of project selection was not adequately documented. The result was the same in all cases: the project appraisal procedures did not ensure that the most (cost) effective projects were chosen. As a result, the national authorities risked ineffectiveness of the projects and endangered the whole measure s effective implementation. In some cases, the beneficiary s later load of operating costs was not considered before a project was accepted or the projects sustainability was not allocated high This applies for one of four audited measures under the national ERDF In a two round procedure, an outline of a project, its effects, schedule and costs is evaluated (first round) and only if this first evaluation recommends it, the applicant is asked for a detailed application to be thoroughly evaluated by the responsible body (second round). This applies for some, not for all, of the audited measures. 14

18 priority weighting in selection criteria (D-ESF, H, M). Where the beneficiary s later load of operating costs is not considered before accepting the project the national authorities risked the project s effectiveness in the long run, as the beneficiary might stop the project as soon as external funding runs out. Due to a low risk strategy of the responsible national body some measures requirements on applications put too high a bureaucratic and cost burden on applicants. As a result the measure could not allocate enough applications from the target group to be effective (H). In another case, the measure did not meet the real demand of the target region with the same result (P). In some cases, the distribution of projects did not follow the real regional demand, because the question of the differences in regional demand s extent and urgency were not considered in the application procedures. Therefore, subsidies went to where the most talented applicants were, not to where most urgent demand was (P). Programme period In some Member States, good practice from the old period is continued in the new period (D-ERDF, E, FIN, I, PL, UK). In some cases the two round procedure is newly implemented or extended to more measures, together with an improved scoring (ranking) system (D, FIN, H, NL). Although this does not yet apply for all suitable aid measures, the affected measures bureaucratic and cost burden on applicants was reduced and the quality of applications evaluation was improved (D, H). In another case, procedures for consideration and evaluation of projects sustainability were improved (H). Other Member States either improved procedures to achieve a more regionally balanced and demand-oriented distribution of subsidies (P), extended the competitive scoring system for project selection to other measures (A) or strengthened the competitive, objective selection of projects by other means e.g. the transfer of responsibility to regional authorities (PL). Some Member States improved procedures especially on value for money evaluation for some of their aid measures (D, NL) others are planning to address weaknesses in their procedures in the new period (I, LV, M). In a number of cases, aid measures of the old period are continued in the new period without amending weaknesses and mistakes in the application procedures first (D). Where the procedural weaknesses in the old period s measures were not eliminated before accepting the measures for the new OP, national authorities risk continuing any ineffectiveness and inefficiencies of the old period in the new one. 15

19 Recommendations Member States ought to develop and apply methodologies for project appraisal, which ensure appropriate assessment of the cost effectiveness and sustainability of projects. Therefore, clear criteria for project evaluation, transparent and reviewable evaluation procedures (including comprehensive documentation) as well as requirements on the description of projects by measurable indicators in the applications must be implemented in every aid measure. The procedures must be able to assess a project s chances of long term effectiveness (sustainability). Member States should consider whether the two round application procedure is suitable for all measures. The same applies for competitive scoring systems. Requirements on applications should be redesigned to ensure that the applications contain all necessary information for a reliable value for money analysis. National authorities ought to examine the projects contribution to the respective measure s targets in every case by a thorough and resilient value for money analysis. Examinations of applicants should in each case contain a systematic cost/benefit analysis. The beneficiary s load of operating costs must be considered before accepting a project for financing, to ensure the project s effectiveness in the long run. Where necessary, the beneficiary must be obliged to carry the costs and his financial reliability must be examined during the evaluation of the application. Procedural weaknesses arisen in the old period s measures ought to be eliminated before continuing the aid measure in the new period. Good practice Publication of calls for tenders with clear and comprehensible specific requirements and indicators for an objective and compulsory description of a project in compliance with the measure s objectives (FIN, H, I, LV, M, PL, SI, UK). Approval of national, regional or local plans that support the selection of projects (E). Thorough examination of projects contribution to the goals of employment (D-ERDF, FIN, PL, UK) or environment (H, UK), sometimes based on supplementary business cases (UK). Use of a two round application procedure that reduces bureaucratic burden and costs for applicants and gives better opportunity for a thorough evaluation of valuable applications (D, FIN, H, NL). 16

20 Using experience from the old period to ensure more consideration of projects long term effects/sustainability in the new period (H) or for procedural improvements (D- ESF, M, NL, and PL) e.g. for a more demand-oriented and regionally balanced distribution of funds (P), an extended use of competitive scoring systems (A, NL) or a more competitive and objective selection of projects (PL). As a result, the interdependence of project quality and granting of support was improved. 17

21 Key Area 3: Award procedures How did the national authorities seek to ensure within the award procedures that the final beneficiaries will carry out the measure/project so as to achieve the planned results in the forecast cost frame, time and manner? Conclusions In several cases the audits showed that the award procedures support the delivery of projects as planned and with sustainable effects. Nevertheless, further improvements of the procedures are often necessary. This Key Area focused especially on whether and how the national authorities used the award procedure to support an effective and sustainable implementation of the projects financed by aid measures. At the same time the award procedures had to ensure that the relevant data for monitoring and evaluation could be collected and that the necessary controls, e.g. on the spot controls even after the funding ended, are possible. For this, the administrative provisions which grant the subsidies to the beneficiaries must contain the necessary controls. Findings Programme period The award procedures ensured that the projects contents and effects were described comprehensively. Other controls were also imposed, e.g. the national authorities rights to control a project s sustainability up to five years after the funding ended (LV), legal sanctions for improper implementation of the project (PL) and recovery of funds when a project was not executed as agreed (A, D-ERDF, H, I, M, SI, UK). In one case, the sustainable implementation of projects in the area of environment was supported by its integration into national, regional or local plans, and by its execution by public entities with compulsory programmes and budgets subject to specific controls (E). A start-up meeting of national authority and beneficiary for every project ensures a mutual understanding of plans, actions and regulations (FIN). 18

22 In one case the beneficiary was obliged to comply with procurement regulations but no other controls were implemented to encourage Funds being used economically (LV). In other cases, the administrative controls were insufficient to ensure the sustainability of a project s effects on employment (D-ESF) or environment (H). In such cases the national authorities risked the beneficiary cutting costs at the expense of the project s effectiveness and hence measures proving to be ineffective. Projects were not always adequately specified and described in the administrative process, so that Funds money could be lawfully transferred to other activities. In such circumstances it is doubtful that funding is being spent effectively (I). A better control of projects progress and success should be achieved by more reliable and specific indicators. In one case the national authorities had defined a special group as a priority target of an aid measure e.g. SMEs, but granted the funding mainly to other organisations, e.g. non profit organisations or research institutions, because there were not enough applications from the original target group (D-ESF). In other cases selection procedures did define a priority target group. Where funding is channelled to beneficiaries other than the original target group or where no target group is defined at all, the risk of ineffective spending is high, as the national authorities cannot channel the funding to where it is most needed. Programme period The procedures to ensure sustainability of projects effects are improved (M), e.g. by considering the beneficiaries financial capacity to bear the operating costs themselves or by integrating suitable controls into the administrative process (H); by introducing sanctions for underperforming projects (NL); by focusing procedures on supporting a defined priority target group (A, D-ESF); and by facilitating the enforcement of claims in the case of substantive shortcomings (A). In several cases good practice from the old period was transferred to the new period (D-ERDF, E, FIN, PL, UK). In some cases the problems of the old period have not yet been resolved as improvements have yet to be announced (D-ESF). Recommendations All necessary controls should be legally binding so that a project is carried out in the planned manner and with the desired sustainable effects and funding is used only for the eligible activities. Clawback of subsidies could be possible. 19

23 The funding should be directed to the original target group of a measure only, not to other organisations whose projects will be less effective. National authorities should define a priority target group for every measure in order to connect Funds money and the most urgent demand. It should be mandatory for beneficiaries to use funding in a cost-effective manner. If there are not enough applications from the original target group the national authority should seek to understand the underlying reasons (e.g. wrong publication policy, too much bureaucratic burden, etc.) rather than merely seeking to ensure that national allocations are spent. Good practice Projects contents and effects were comprehensively described in the award process by indicators which facilitated reliable monitoring and evaluation of the projects achievements (I, M). All necessary controls, e.g. rights to control a project s sustainability after the funding ended (LV) and recovery of funds in case a project was not executed as agreed, were imposed (A, D-ERDF, FIN, H, I, SI, UK). Start up meetings improved the beneficiaries understanding of requirements and controls (FIN). Improvements in ensuring sustainability of projects effects (H, M) e.g. by controls to ensure the clawback of money from underperforming projects (NL ) or by focusing selection procedures on newly defined target groups, in order to match the funding with the greatest need and by concluding work contracts instead of grant agreements (A). Restructuring and retargeting of measures in the new period based on independent evaluations in the old period leads to a better matching of grants and beneficiaries needs and increased the projects chances for sustainable success (D-ESF and PL). Perpetuation of good practice from the old period in the present period (D-ERDF, E, FIN, H, PL, UK). 20

24 Key Area 4: Monitoring and Reporting Did Member States establish national monitoring and reporting systems for supporting an appropriate evaluation of ongoing measures and will they support the evaluation of measures in the future? Conclusions For the period Member States have established national systems for monitoring and reporting, which meet the requirements of the relevant EU regulations. National monitoring systems have provided a basis for evaluation although they have not always been sufficient or reliable. One of the reasons is that the monitoring indicators adopted in a number of Member States have been overcomplicated, not sufficiently well-defined, or inconsistent. More attention was paid by some Member States to monitoring financial progress than to monitoring progress in achievement of the planned outcomes. National monitoring and reporting systems for the period are still being developed. Where the systems have been established they generally comply with EUregulations and reflect experiences from the former period. Findings Programme period In accordance with provisions of the relevant EU regulations, each audited Member State set up a national system of monitoring and reporting for the programming period. These established systems provided a suitable basis for evaluation. There were however some weaknesses detected in this area, connected mostly with various aspects of data reliability, deficiencies in computer systems or problems with indicators. The monitoring systems established in several Member States did not provide sufficient basis for measuring the results or impacts of the projects and did not provide a sound basis for evaluation (D-ESF, FIN, H, I, LV, NL, SK, SI). In some cases, there were difficulties in comparing planned and achieved results (FIN, H, LV, SI). In one Member State the provision of information that would allow statements about the impact of individual projects was voluntary. In one measure the national authorities did not intervene in cases when the reports showed that project 21

25 implementation had varied from the original plans and would fail to meet essential objectives (D-ESF). There were also doubts raised whether the monitoring data were reliable enough to warrant conclusions about the impact of either individual projects or parts of the programme (FIN, NL, SK, SI). The review showed some weaknesses of the electronic monitoring and control systems (E, FIN, H, M, NL-ERDF, PL, SK, SI), mainly that they were laborious and complicated to use (FIN), not accessible to all parties (SI), having limited reporting facilities, and some users did not have the necessary skills to use it (M), the entry of data dealing with output and results indicators started too late, only in implementation cycle (H). The audit revealed that the proper selection and definition of the monitoring indicators was a common problem in almost all Member States. The following issues were identified with the adopted monitoring indicators: a number of monitoring indicators were open to interpretation, not measurable or related to only one attribute (FIN, I, M, NL, SI, UK), not relevant in every project or across the regions (FIN, UK), or not consistent in different programming documents (D-ESF, LV); the number of monitoring indicators was too extensive and in some cases their initial target value was not realistic; this led to a significant number of changes and amendments of the indicators during the programming period (E); each beneficiary and intermediate body applied its own criteria when indicators were open to interpretation; as a result there were difficulties to generate valid information to base a sound comparison upon (E, UK); there are no robust mechanisms in place to measure the indirect impact of aided measures (H, I, M, P, UK); the expected impact of projects was based on conservative estimates; for the majority of monitoring indicators for audited measures, the achievements by the end 2007 exceeded the estimated level for end of the programme in 2008 (PL). In a few Member States monitoring of results and impact ceased with the expiry of funding or project implementation and data completion or ex-post evaluation, concerning the continuation of projects after expiry of grant funding, did not take place (D-ESF, NL, UK). There were also other weaknesses revealed in some Member States during the audit, for instance: 22

26 Some Member States paid relatively more attention to monitoring financial progress than to monitoring progress in the achievement of sustainable results and impacts (D- ERDF, I, NL, PL, SK, SI). Delays occurred in the submission of monitoring reports, resulting from too tight deadlines for preparation and verification of the reports and deficiencies in the computer monitoring system (PL, SK). Some monitoring reports submitted by the beneficiaries contained errors and shortcomings resulting from weaknesses in their internal control systems (PL). The requirements relating to the analysis of reports and data were not sufficiently defined (SI). The audit revealed cases in which reporting activities were not adequately documented (A, PL). Programme period In accordance with the relevant EU regulations, the monitoring and reporting systems for the programming period have already been established in a few Member States (E, LV, M, P, UK), while they are still being prepared in the majority (A, D-ESF, FIN, H, I, NL, PL, SI). The experience acquired from the period has been used effectively in either preparing a completely new system (FIN, NL, PL) or in improving or upgrading the previous system (D-ESF, E, H, LV, M, P, SI, UK). Where national monitoring and reporting systems had already been established they generally comply with EU-regulations. Recommendations The national monitoring systems should gather suitable data for measuring the results or impacts of the projects and for evaluating effectiveness of the programmes; the reliability of the data gathered in the monitoring systems should be increased. Evaluations of the quality and impact of projects implementation should be extended to cover the period after the expiry of a project s funding and implementation, in order to assess whether the project has contributed to the achievement of the programme goals. Project indicators should be simplified, better defined and developed so that they measure project results and effectiveness better, their target values should be more realistic, more over they should be compatible with the indicators for monitoring and evaluation at the strategic level of the programmes. 23

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